VA 02 82 13 41-2011 ASBESTOS ABATEMENT FOR TOTAL DEMOLITION PROJECTS.pdf
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1、07-11 02 82 13.41 - i INSTRUCTIONS TO THE ARCHITECT/ENGINEER/VP CONSULTANT SECTION 02 82 13.41 ASBESTOS ABATEMENT FOR TOTAL DEMOLITION PROJECTS 1. These specifications provide general guidance to personnel related to designing/implementing and executing the work required for a demolition project. Ea
2、ch demolition project will be a unique situation and therefore must be tailored for that project. This specification incorporates current regulatory requirements and current best abatement practices, procedures and technology. The Architect/Engineer and/or the Industrial Hygiene consultants may prov
3、ide additional specification additions or deletions to this specification that, in their professional judgment, will ensure a safe and effective approach to a specific abatement project while maintaining compliance with applicable regulations and VA policy. Any changes must be clearly marked on/atta
4、ched to this document prior to finalization of the specification so that the changes will be adequately considered in the review process by the VA. 2. These specifications are to be used in conjunction with asbestos abatement contractor selection criteria; special instructions package; and general c
5、onstruction provisions. 3. Paragraphs that are not preceded by a number code are indented as instructions to the specifications writer and identified by the notation “Spec Writer Notes“. These paragraphs must be deleted from the final document. 4. Within the text of the specifications, there may be
6、optional procedures which the specification writer could include in the final specification. Procedures which are not chosen must be deleted by the specification writer. Optional text is shown by the notation (/text/). 5. The specification writer, VPIH/CIH, CPIH/CIH, and A/E must be aware of and rea
7、d the VA A/E Quality Alert 07/09 since it details common errors in specification and contract documents for asbestos project. This would be especially helpful if a survey is being conducted prior to an abatement project. A full AHERA survey of the facility would be needed prior to renovation activit
8、ies, however, if demolition of the facility is planned, a NESHAP survey of the facility would need to be performed. 6. Other issues that may have a significant impact on the total demolition project is the presence of perchloric acid hoods/systems, lead based paint, and/or soil contamination present
9、 in the VA. These issues will have to be addressed prior to the demolition work beginning. The requirements for dealing with these items must be detailed in this or a separate specification. These potential issues must be addressed/evaluated prior to the demolitions or any other issues particular to
10、 that VA building. Provided by IHSNot for ResaleNo reproduction or networking permitted without license from IHS-,-,-07-11 02 82 13.41 - ii EPA NESHAP - REGULATED ASBESTOS CONTAINING MATERIALS (RACM) EPA requires in their NESHAP Standard at 40 CFR Part 61 - Subpart M that all RACM be removed from a
11、facility undergoing renovation/demolition. If total demolition is being done, the building and everything in it will be affected. EPA considers friable asbestos; Category I and Category II material that is or will become friable to be RACM. Therefore, a thorough inspection is required under NESHAP t
12、o inspect for and evaluate all asbestos in a building to determine if it is or will become RACM. If the facility has a current inspection, as required by the VA, and the inspection is considered adequate for total demolition of the building, that inspection may be used. The adequacy of previous asbe
13、stos inspection(s) is to be determined by the EPA/State certified Project Designer. However, the total demolition of the building will open walls, chases, etc. that may have hidden asbestos. There may be a need for an intrusive/partial intrusive survey to determine locations of hidden asbestos. ACM
14、- Any material containing more than 1% asbestos as determined by using the method specified in EPA 40 CFR part 763, Subpart E, Appendix E, Section 1, Polarized Light Microscopy. Demolition - means the wrecking or taking out of any load supporting structural member of a facility together with any rel
15、ated handling operations or the intentional burning of a facility. VA Total Demolition - means a building or a substantial part of the building is completely removed, torn or knocked down, bulldozed, flattened, or razed, including removal of building debris. Friable asbestos is defined as: any mater
16、ial containing more than 1% asbestos as determined by polarized light microscopy (PLM) that, when dry, can be crumbled, pulverized, or reduced to powder by hand pressure. This definition would include any pipe, tank, boiler or fittings containing asbestos from any thermal system insulation or any su
17、rfacing application of asbestos for fireproofing, acoustical or decoration purpose. Category I non-friable ACM is defined as: packings, gaskets, resilient floor coverings, and asphalt roofing materials containing more than 1% asbestos. Category I non-friable materials in good condition which are sti
18、ll flexible/bendable can typically stay with the building if a demolition is done, including implosion. Floor tile and roofing materials are examples of Category I materials. In the VA buildings, they are usually in excellent condition and can remain with the building during demolition. If the Build
19、ing demolition materials are going to be recycled, the Category I materials must be removed from the building prior to demolition activities. If these materials are rendered friable during the demolition, they must be removed prior to the demolition work affecting them. Category II non-friable mater
20、ial is defined as: any material, excluding Category I, containing more than 1% asbestos. By definition, Category II materials are not resilient. Transite is a typical Category II material. Any Category material that is, or will become friable during demolition, must be removed prior to demolition ac
21、tivities. Therefore, most any Category II material such as transite materials must be removed prior to demolition. Provided by IHSNot for ResaleNo reproduction or networking permitted without license from IHS-,-,-07-11 02 82 13.41 - iii The above mentioned inspection must locate, classify, and docum
22、ent the NESHAP status of each ACM. Any ACM that is considered RACM must be removed prior to demolition. Provided by IHSNot for ResaleNo reproduction or networking permitted without license from IHS-,-,-07-11 02 82 13.41 - iv SECTION 02 82 13.41 TABLE OF CONTENTS TITLE PAGE 1.1 SUMMARY OF THE WORK .
23、1 1.1.1 CONTRACT DOCUMENTS AND RELATED REQUIREMENTS . 1 1.1.2 EXTENT OF WORK 1 1.1.3 RELATED WORK 1 1.1.4 TASKS . 2 1.1.5 ABATEMENT CONTRACTOR USE OF PREMISES 2 1.2 STOP ABATEMENT ORDER 2 1.3 DEFINITIONS . 3 1.3.1 GENERAL . 3 1.3.2 GLOSSARY: . 3 1.3.3 REFERENCED STANDARDS ORGANIZATIONS: . 9 1.4 APPL
24、ICABLE CODES AND REGULATIONS 10 1.4.1 GENERAL APPLICABILITY OF CODES, REGULATIONS, AND STANDARDS: . 10 1.4.2 ABATEMENT CONTRACTOR RESPONSIBILITY: 11 1.4.3 FEDERAL REQUIREMENTS: . 11 1.4.4 STATE REQUIREMENTS: . 11 1.4.5 LOCAL REQUIREMENTS: . 11 1.4.6 PERMITS/LICENSES: . 11 1.4.7 POSTING AND FILING OF
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